HR1062-119

In Committee

Growing and Preserving Innovation in America Act of 2025

119th Congress Introduced Feb 6, 2025

Summary

What This Bill Does

The Growing and Preserving Innovation in America Act amends Internal Revenue Code section 250. Its operative change preserves the higher foreign-derived intangible income deduction percentage by substituting 37.5 percent where the scheduled law would reduce the deduction. FDII is aimed at income from serving foreign markets with U.S.-held intangible property, so the bill benefits U.S. corporations with export-oriented intellectual property and foreign-derived sales while reducing expected federal revenue compared with the scheduled reduction.

Who Benefits and How

U.S. corporations with foreign-derived intangible income benefit from a larger continuing deduction. Export-oriented technology and manufacturing firms benefit if the deduction lowers tax on foreign-market income tied to U.S. intangibles. Tax planners benefit from preserving a more favorable section 250 percentage instead of adapting to the scheduled reduction. Innovation policy advocates benefit if the lower effective tax rate encourages companies to keep intangible property in the United States.

Who Bears the Burden and How

Federal taxpayers bear revenue loss compared with the scheduled reduction in the deduction. Treasury revenue estimators must account for a larger FDII deduction after enactment. IRS corporate tax examiners must administer the preserved deduction percentage. Domestic-only firms do not receive the same foreign-derived income tax advantage.

Key Provisions

  • Amends section 250 to preserve a 37.5 percent FDII deduction percentage.
  • Repeals the scheduled reduction in the deduction for foreign-derived intangible income.
  • Applies the change on the date of enactment.
  • Maintains a lower effective tax rate for qualifying foreign-derived intangible income.

Evidence Chain:

This summary is generated from the full bill text using AI analysis. Expand "Detailed Analysis" below for identified beneficiaries/burden bearers with clause-level evidence links.

At a Glance

What This Bill Does

Repeals the scheduled reduction in the foreign-derived intangible income deduction by keeping the section 250 percentage at 37.5 percent after enactment.

Key Policy Areas

Tax, International Business, Innovation

Primary Purpose

Repeals the scheduled reduction in the foreign-derived intangible income deduction by keeping the section 250 percentage at 37.5 percent after enactment.

Policy Domains

Tax International Business Innovation

Resolution provisions

Identified Gains
  • U.S. corporations with FDII
  • Export-oriented technology firms
  • Tax planners
  • Innovation policy advocates
Model: codex-gpt-5 | Version: bill_summary_v2 | Source: ih
Tax planners:
Innovation policy advocates:
U.S. corporations with FDII:
Export-oriented technology firms:
Identified Costs
  • Federal taxpayers
  • Treasury revenue estimators
  • IRS corporate tax examiners
  • Domestic-only firms
Model: codex-gpt-5 | Version: bill_summary_v2 | Source: ih
Federal taxpayers:
Domestic-only firms:
IRS corporate tax examiners:
Treasury revenue estimators:

Legislative Progress

In Committee
Introduced Committee Passed
Feb 6, 2025

Mr. Feenstra (for himself and Mr. Morelle) introduced the following …

Feb 6, 2025

Referred to the House Committee on Ways and Means.

Feb 6, 2025

Introduced in House

Stakeholder Effects

cui bono?

How this legislation distributes effects. Mention counts reflect frequency, not effect magnitude.

Small Business
1 mention across 1 clause
+1 positive

U.S. corporations with FDII

Technology
1 mention across 1 clause
+1 positive

Export-oriented technology firms

Taxpayers
1 mention across 1 clause
-1 negative

Taxpayers

Government
1 mention across 1 clause
-1 negative

IRS corporate tax examiners

1/2
sections analyzed
Full impact breakdown

Bill Structure & Actor Mappings

Who is "The Secretary" in each section?

Domains
Tax International Business Innovation

We use a combination of our own taxonomy and classification in addition to large language models to assess meaning and potential beneficiaries. High confidence means strong textual evidence. Always verify with the original bill text.

Learn more about our methodology